A Publication of Pepper Hamilton LLP

Financial Services Alert

Residential Mortgage Brokers and Originators: You Have Until Aug. 13 to Set Up Your AML Program

Tuesday, July 17, 2012

The Financial Crimes Enforcement Network (FinCEN), a bureau of the Department of the Treasury, has announced that as of August 13, 2012, non-bank residential mortgage lenders and originators are required to have implemented anti-money laundering (AML) programs that are reasonably designed to prevent them from being used to facilitate money laundering or the financing of terrorist activities. FinCEN has previously issued regulations defining non-bank residential mortgage lenders and originators as loan or finance companies for the purpose of requiring them to establish anti-money laundering programs and report suspicious activities under the Bank Secrecy Act (BSA).

Pursuant to previous guidance, FinCEN interprets the term “loan or finance company” under the BSA to include any non-bank residential mortgage lenders and originators (RMLOs – generally known as “mortgage companies” and “mortgage brokers” in the residential mortgage business sector).

Under the rule, FinCEN had stated that the AML programs to be implemented by RMLOs must include:

  • policies, procedures and internal controls based upon the RMLO’s assessment of the money laundering and terrorist financing risks associated with its products and services
  • provision for ongoing training of appropriate personnel concerning their responsibilities under the AML program
  • designation of a compliance officer who is responsible for ensuring that the AML program is implemented, that the AML program is updated as necessary, and to supervise training of appropriate personnel with respect to the AML program
  • provision for third-party testing to monitor and maintain adequate compliance of the AML program.

Any AML program established by an RMLO must be approved by senior management. A copy of the AML program must at all times be available for inspection by FinCEN or its designee upon request.

Pepper Points: (1) Although FinCEN’s release does not define what “implement” means, we recommend that all action with respect to implementation of an AML program, including appointment of a compliance officer, approval of the AML program by senior management, and training of appropriate personnel be completed by the August 13, 2012 deadline. Additionally, it is imperative that RMLOs ensure that that their AML compliance programs have been implemented before they represent in any legal document that they are in full compliance with all applicable laws and regulations. It is equally crucial that depository institutions ensure that an RMLO with which it deals has an AML program before accepting a representation from an RMLO that it is in full compliance with all applicable laws and regulations.

(2) RMLOs who work with Government Sponsored Enterprises, the Federal Housing Administration or other federal government entities may find themselves exposed to lawsuits under the False Claims Act should they represent to those organizations that they are in compliance with all applicable laws and regulations, but have inadequate or non-existent AML programs.

Frank A. Mayer III, Richard J. Zack, Andrew C. Maher, Daniel G. Murray and Audrey D. Wisotsky

Written by

Frank A. Mayer, III
Phone: 215.981.4632
Fax: 215.981.4750

Richard J. Zack
Phone: 215.981.4726
Fax: 215.981.4750

Daniel G. Murray
Phone: 609.951.4202
Fax: 609.452.1147

Audrey D. Wisotsky
Phone: 609.951.4133
Fax: 609.452.1147

Andrew C. Maher

The material in this publication is based on laws, court decisions, administrative rulings and congressional materials, and should not be construed as legal advice or legal opinions on specific facts. The information in this publication is not intended to create, and the transmission and receipt of it does not constitute, a lawyer-client relationship.

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